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Feasibility Study:
Telecare in Scotland Analogue to
Digital Transition
Product 1 Report
NHS 24, Scottish Centre for Telehealth and Telecare
Copyright © 2015 FarrPoint Ltd has produced the information contained herein for NHS24. The ownership, use and disclosure of this information are subject to the Terms and Conditions contained in the contract between FarrPoint Ltd and NHS24, under which it was prepared.
Revision Description Author Checked Reviewed Authorised Date
1.0 Initial Issue for Client Comments
RP/AP AM AP/AM AM 07/08/2015
2.0 Reissued incorporating client comments
RP AP AP RP 21/08/2015
3.0 Reissued incorporating further client comments
RP AP AP RP 09/10/2015
NHS24D3V3.0 Page 3 of 60 October 2015
CONTENTS
1. Executive Summary ............................................................................................ 4
2. Introduction ......................................................................................................... 8
2.1 Background............................................................................................................. 8 2.2 Scope of the Workstream 5 Feasibility Study .......................................................... 9
3. Definition of Analogue and Digital Telecare ...................................................... 10
3.1 Example Analogue Telecare Solution ................................................................... 10 3.2 Example Digital Telecare Solution ........................................................................ 13 3.3 Definition of Digital ................................................................................................ 16
4. Current Scottish Telecare Profile ...................................................................... 17
4.1 Methodology ......................................................................................................... 17 4.2 Summary of Current Telecare Provision in Scotland ............................................. 19 4.3 Summary of Current Technology in Use in Scotland ............................................. 20 4.4 Current Use of Digital Telecare Solutions in Scotland ........................................... 21
5. Case Studies ..................................................................................................... 23
5.1 City of Edinburgh Council ...................................................................................... 23 5.3 Bield Housing ........................................................................................................ 25 5.4 Sweden’s Experience of Digital Telecare .............................................................. 27
6. Market Direction and Technology...................................................................... 30
6.1 Telecare Equipment and Service Suppliers........................................................... 30 6.2 Social Alarm Standards and Protocols .................................................................. 32 6.3 Telecom Providers ................................................................................................ 33
7. The Potential Benefits of Digital Telecare ......................................................... 36
7.1 Methodology ......................................................................................................... 36 7.2 Potential Reliability Benefits .................................................................................. 37 7.3 Potential Efficiency Benefits .................................................................................. 39 7.4 Potential Additional Functionality Benefits ............................................................. 43 7.5 Potential Telehealth Benefits................................................................................. 46
8. Product 1 Conclusions ...................................................................................... 50
Appendix A – Glossary ............................................................................................. 53
Appendix B – List of Consultees .............................................................................. 56
Appendix C – Summary of Potential Benefits ........................................................... 57
NHS24D3V3.0 Page 4 of 60 October 2015
1. Executive Summary
The Scottish Government, via The Scottish Centre for Telehealth and Telecare, has
commissioned FarrPoint to undertake a feasibility study to investigate the transition of
Telecare within Scotland from analogue to digital technology. This is a constituent part
of a wider Technology Enabled Care Programme aligned with the National Telehealth
& Telecare Delivery Plan aiming to enable greater choice and control in healthcare and
wellbeing services for an additional 300,000 people by March 2016, enabling more
citizens to remain at home and in their communities.
This study relates to Workstream 5 within the Technology Enabled Care Programme:
Workstream 5: Exploring the scope and benefits of switching current
provision of Telecare from analogue to digital Telecare.
In completing the overall feasibility study, a number of staged products were agreed as
deliverables:
Product 1 - Evidence Base and Profile;
Product 2 - Implementation Guide and Cost Benefit Analysis;
Product 3 - Trial Site Design.
This report details the findings of the first Product, examining the transition of Telecare
in Scotland from analogue to digital. The Product has audited the current digital status
of Telecare solutions in Scotland and has examined the potential benefits that a move
to digital Telecare may deliver.
Prior to examining the benefits and practicalities of moving Telecare from analogue to
digital, it is important to first define what is meant by Digital Telecare. For the purposes
of this study FarrPoint has developed the following definition of Digital Telecare:
A Telecare solution is considered to be Digital if it carries information end-to-
end, from sensor / monitor, to the Alarm Receiving Centre agent’s workstation
/ telephone in a digital form without any conversion occurring. In technical
terms, this means that data will be carried end-to-end using Internet Protocol
(IP) format.
To establish the current digital status of Telecare solutions in Scotland questionnaires
were sent to all ARCs that are operated by, or on behalf of, Scottish public bodies. 81%
NHS24D3V3.0 Page 5 of 60 October 2015
of questionnaire responses were received. The responses are consistent with those
received by SCTT and JIT in previous, similar exercises. Headline findings are that:
it is estimated that there are 22 ARCs delivering telecare solutions for, or on
behalf of, Scottish public bodies;
it is estimated that 38% of ARCs are providing services for more than one public
body;
the 22 organisations that provided questionnaire responses are serving a total
of approximately 153,000 subscribers and receive around 4 million incoming
Telecare alarm calls per annum. These calls are answered by a total of 256
full-time equivalent agents, an average of 12.8 agents per ARC;
Tunstall is the dominant provider of Telecare ARC solutions, being used by 12
respondents. Jontek and Chubb solutions are used by two and three
respondents respectively. The remaining respondents use other solutions. The
ARC solutions deployed vary in their age and software release;
a range of suppliers’ controller and sensor/monitor equipment is used, although
there are examples of some providers using a single provider’s equipment for
their ARC system and all controllers, sensors/monitors.
No Scottish Telecare solution currently meets the definition of digital Telecare. There
are examples of deployments based on digital technology, for example geofencing and
video camera use, but these are limited in scale and number and tend to be deployed
as standalone solutions, separate to the main Telecare systems. A number of Telecare
providers are currently starting the process of procuring new ARC solutions and are
considering solutions that offer a greater degree of digital capability than used at
present, however, these procurements are in the early stages and no decisions have
yet been made on the nature of the new solutions that will be delivered.
The range of supplier equipment and age of the current Scottish Telecare systems is
a factor that will need to be considered in the next Product of this study when the high
level implementation guide for digital Telecare is developed. The fact that ARCs are
starting from different positions, with some more ‘digital ready’ than others will mean
that there are a number of challenges in developing a single standard approach for the
deployment of digital Telecare.
Telecare providers would currently struggle to procure a Telecare solution that met the
above definition of digital Telecare and delivered all of the potential benefits identified.
NHS24D3V3.0 Page 6 of 60 October 2015
This is because none of the larger suppliers currently offer an end-to-end digital
solution, although some are closer to being able to offer this than others. Lack of
customer demand, and the absence of recognised standards for digital Telecare, are
factors contributing to this situation. This is another factor that that will need to be
considered as part of the high level digital Telecare implementation guide produced in
the next Product of this study. It is clear that a direct move to a fully digital Telecare
solution is probably not viable, and an approach based on an incremental digital
deployment is more likely to be appropriate.
This incremental digital deployment approach is being used in Sweden. The initial
focus of digital Telecare has been the shift to digital connection between in-home
controllers and the ARC. This is to address the reliability issues experienced following
the main Swedish telecom provider’s shift to using digital technology in their core
networks, and the end of their obligation to provide analogue exchange lines. This shift
from analogue exchange lines meant that there was a compelling event driving the
need to adopt digital Telecare. There are currently no similar plans for the
decommissioning of analogue phone lines in the UK, however, there are reports that
BT is seeking this issue to be included within the scope of the Digital Communications
Review currently being completed by Ofcom, and so this is an area that should be
monitored.
Currently 40,000 of Sweden’s 220,000 Telecare subscribers have been shifted to this
digital technology. The initial focus of the digital Telecare rollout has been on
subscribers in rural areas as the Swedish telecoms provider is decommissioning
analogue exchange lines in these areas first. Given the incremental deployment of
digital technology, the current Telecare solutions in Sweden do not meet the definition
of digital Telecare.
The experience from Sweden, along with the discussions held and questionnaire
responses received from Scottish Telecare providers, have allowed a range of potential
benefits of digital Telecare to be identified. These potential benefits fall into four main
themes:
Reliability – Potential benefits relating to improving the reliability and quality of
Telecare services, or ensuring the continuity of Telecare;
Efficiency – Potential benefits relating to improving the efficiency of Telecare.
These relate both to efficiencies gained through improvements in delivery
NHS24D3V3.0 Page 7 of 60 October 2015
methods and utilising increased sharing of information/partnership working to
broaden services;
Additional Functionality – Potential benefits obtained by using digital
technology to deliver new Telecare functionality and services;
Telehealth – Potential benefits obtained by using digital Telecare technology
to support the delivery of Telehealth services.
At this stage of the study, potential benefits have been identified by FarrPoint, but no
further analysis of them has been completed. The Cost Benefit Analysis completed in
Product 2 of this study will establish the value and viability, or otherwise, of each of
these potential benefits.
A number of the potential benefits identified relate to the additional capacity, flexibility,
and future-proofing that digital Telecare could deliver. These reflect the fact that digital
Telecare provides an enabling platform which could be used to deliver change and a
range of new services and applications, and not just those directly related to Telecare.
The nature of this change is not currently fully understood, and is, to a large degree,
dependent upon the output from the other four Workstreams of the Technology
Enabled Care programme. Programme-level co-ordination will need to ensure that the
Workstreams take account of each others’ findings and that cross-dependencies and
potential overlap in business cases is identified. It is likely that costs identified in the
Digital Telecare business case will act as an enabler for benefits delivered other
Workstreams. For example, using the digital Telecare connection to subscribers’
homes could also support the delivery of video-conferencing (Workstream 2) or home
health monitoring (Workstream 1) services.
NHS24D3V3.0 Page 8 of 60 October 2015
2. Introduction
2.1 Background
The Telehealth and Telecare National Delivery Plan from the Scottish Government,
CoSLA and NHS Scotland, sets out the vision and direction for a Scotland in which the
use of technology will be integrated into healthcare development and delivery, to
transform access and availability of services in our homes and communities.
Technology-enabled care is vital to the successful delivery of this vision. In support of
this, the Scottish Government has launched a three year Technology Enabled Care
Development Programme comprising five related workstreams:
Workstream 1: Expansion of home health monitoring as part of integrated
care plans to move beyond the small/medium scale initiatives that have been
introduced in a small number of areas to substantial programmes across
Scotland, building on the United4Health programme;
Workstream 2: Expanding the use of video conferencing using the
experience of the NHS video conferencing systems to enable partner
organisations across all health and social care sectors to participate and
benefit, as well as growing its use for clinical/practitioner consultations;
Workstream 3: Building on the emerging national digital platforms of
Living it Up and ALISS to expand supported self-management information,
products and services for Scottish citizens. This will include direct access to
advice and assistance for the public through use of home and mobile
technology as well as 'second line' support for clinicians and staff who need to
use complementary technology and who access and share information from
telehealth and Telecare devices;
Workstream 4: Expanding the take up of Telecare, with a particular focus
on upstream prevention, support for people at transitions points of care and
people with dementia and their carers;
Workstream 5: Exploring the scope and benefits of switching current
provision of Telecare from analogue to digital Telecare.
FarrPoint was awarded the contract for Workstream 5. This feasibility study report is
the first deliverable of Workstream 5.
NHS24D3V3.0 Page 9 of 60 October 2015
2.2 Scope of the Workstream 5 Feasibility Study
The purpose of Workstream 5 is to explore the scope and benefits of switching the
provision of Telecare in Scotland from analogue to digital.
There are three Products within this Workstream, all of which are presented in this
report.
Product 1: Evidence Base and Profile
Product 1 creates a clear definition for Digital Telecare services in Scotland,
and presents information on the existing profile, i.e. the degree of progression
towards that definition that has already occurred. Additionally, the potential
benefits that Digital Telecare may offer are recorded for further analysis and
review in Product 2.
Product 2: Implementation Guide plus Cost Benefit Analysis
Product 2 presents a high level implementation roadmap for organisations
seeking to make the transition to Digital Telecare, along with a detailed cost
benefit analysis for Digital Telecare using potential benefits identified in
Product 1.
Product 3: Trial Site Design
Product 3 designs a number of trials to be established in March 2016 and
conducted in 2016/17 to collate additional evidence and best practice for
moving from analogue to Digital Telecare. The trial will aim to prove the
robustness of the cost benefit analysis and implementation guide from
Product 2.
NHS24D3V3.0 Page 10 of 60 October 2015
3. Definition of Analogue and Digital Telecare
Prior to examining the benefits and practicalities of moving Telecare from analogue to
digital it is important to first define what is meant by these terms.
The following sections provide a high level overview of the components that comprise
a typical analogue Telecare solution, a potential Digital Telecare solution, and a
definition of ‘Digital’.
It is important to note that the topologies presented in this section are example solutions
provided only to highlight the main system components. In reality the Telecare
solutions currently deployed in Scotland use products from a range of suppliers; may
be integrated with other corporate IT systems; and will be of varying ages. It is also
important to note that the two examples represent two extremes: wholly analogue and
wholly digital. In reality there are a range of potential hybrid solutions between these
two positions containing both analogue and digital components.
Generic terms are used for each of the system components, rather than specific
product names used by manufacturers.
3.1 Example Analogue Telecare Solution
Figure 3.1 shows a typical high level topology of an analogue Telecare solution.
Figure 3.1: Example Analogue Telecare Solution (source: FarrPoint)
There are three main elements to the solution, each of which contain a number of
components:
The subscriber’s home;
NHS24D3V3.0 Page 11 of 60 October 2015
The public telephone network;
The alarm receiving centre.
The Subscriber’s Home
The key component within a subscriber’s home is the controller unit. This is
responsible for receiving alerts from a variety of sensors/monitors in the home and
communicating with the alarm receiving centre. Controller units are typically located
on a table, or are wall mounted, and require connection to power and a telephone line.
A range of fixed or mobile sensors/monitors can be located in the home alerting to a
range of conditions such as smoke, flood, bed occupancy, fall detection and mobile
alarm pendants. Typically, sensors connect to the controller unit using a short-range
radio frequency band reserved for Social Alarms / Telecare systems, at 869MHz.
Sensors can also be wired to the controller unit, which is more common in sheltered
housing complexes than single houses due to the increased costs of fixed cabling.
When a sensor/monitor is triggered, either through reactive monitoring (i.e. smoke
alarm) or via manual intervention (i.e. pressing the call button on a pendant), it sends
a signal to the controller device. The controller then makes a telephone call to the
alarm receiving centre using a pre-programmed number. When the call is answered
by the alarm receiving centre, the controller transmits information on its identity (i.e.
where the call is coming from) and the details of the sensor alarm that has triggered
(i.e. why it is calling).
The controller device is connected to a standard analogue phone line in the
subscriber’s house. This is usually the subscriber’s existing telephone line as there is
not normally a need for a dedicated phone line to be installed. Typically, the controller
device communicates with the equipment in the alarm receiving centre using Dual
Tone Multi-Frequency (DTMF) signalling, or proprietary (manufacturer specific)
variants of this signalling. DTMF is a signalling technique that dates back to the 1960s
and allows information (digits) to be sent over a telephone connection using a
combination of audible tones of different frequencies. DTMF signalling is a wholly
analogue solution able to transmit only very basic information; essentially numbers on
a telephone keypad.
Once the controller device is connected to the alarm receiving centre, if required, the
agents in the receiving centre can use the connection to talk to the subscriber. The
NHS24D3V3.0 Page 12 of 60 October 2015
controller device can contain a speaker/microphone to allow this, or a dedicated
speaker phone may be used.
The Public Telephone Network
Calls between the controller unit in a subscriber’s home and the alarm receiving centre
are carried over the public telephone network (also often referred to as the Public
Switched Telephone Network, or PSTN).
In reality the public telephone network is a number of interconnected networks owned
by many suppliers. This means that a subscriber can rent a telephone line (also called
an Exchange Line) from one supplier, and make calls to someone on another network.
Historically British Telecom (BT) was the sole supplier of telephone lines in the UK,
however, these are now available from a number of suppliers such as Virgin Media,
TalkTalk, and Sky.
Any calls made by a subscriber will be carried to the nearest telephone exchange (or
data centre) as an analogue signal. Once the call reaches the exchange it will be
converted into a digital form to allow it to be sent over the supplier’s internal network.
Increasingly the digital standard used on the network is Internet Protocol (IP), being
the same standard that is used to send information over the Internet. Many of the
newer telephone networks have used IP to carry telephone calls since they were
installed. In the case of BT, it is in the process of completing its transition to IP as part
of its 21st Century Network (21CN) refresh programme.
Once the call reaches the intended destination (the called number), it is converted back
into an analogue form and is delivered to the telephone line of the recipient.
The key point to note is that although the subscriber is making a call over an analogue
phone line, the call is primarily carried in digital form over the telephone network without
the parties being aware of the conversion(s).
The Alarm Receiving Centre
Calls from a subscriber’s controller unit are received at the Alarm Receiving Centre
(ARC). The calls are answered by a telephone switch (called a PBX or Private Branch
Exchange) and delivered to a server (computer) that provides the Telecare call
handling system.
NHS24D3V3.0 Page 13 of 60 October 2015
Typically, on receipt of a call from a remote controller unit, the ARC call handling system
will automatically answer the call and exchange DTMF tones with the subscriber’s
controller unit. Using its internal database of subscribers and alarm sensor codes, the
ARC system will be able to identify the subscriber and the reason for the call. This
allows an incident to be triggered in the handling system to be answered by an agent.
Depending on type of ARC system in use at the monitoring centre, alarms will be
prioritised and dealt with using a set of protocols or guidelines. Some alerts received
may be automated and maintenance related i.e. low battery conditions within sensors.
3.2 Example Digital Telecare Solution
Figure 3.2 shows a typical high level topology of a Digital Telecare solution. It should
be noted that this topology is very similar to that of the analogue. The main difference
(which cannot be shown in the diagram) is not the number and/or location of system
components, but in the protocols that they are using, further details on these protocols
are provided below.
Figure 3.2: Example Digital Telecare Solution (source: FarrPoint)
The Subscriber’s Home
Within the subscriber’s home in a digital model, components are very similar to that of
analogue in that much the same functions are required. Controller units are typically
located on a table, or wall mounted, and require connection to power and either a
broadband connection and/or will have a SIM to connect to the mobile telephone
network.
NHS24D3V3.0 Page 14 of 60 October 2015
A range of fixed or mobile sensors/monitors can be located in the home alerting to a
range of conditions such as smoke, flood, bed occupancy, fall detection and mobile
alarm pendants. Connection to the controller can either be as for analogue (i.e. radio
or hard wired) or use digital technologies such as Bluetooth or WiFi. The benefit of
digital technologies is that they allow more content/information to be exchanged with
intelligent sensors and can be “two way” which allows for interrogation.
When a sensor/monitor is triggered, either through reactive monitoring (i.e. smoke
alarm) or via manual intervention (i.e. pressing the call button on a pendant), it sends
a signal to the controller device. The controller device is very likely to be always on-
line and connected to the ARC, or a number of ARCs, so a near instantaneous
exchange of messaging can take place (i.e. there is no need for the controller to dial
an ARC as in the analogue model, which can take up to two minutes). As the capacity
of the communication medium being used is much higher than with the analogue
model, more information can be exchanged between the controller unit and the ARC,
for example the alarm, status and likely causes.
The controller device is connected to a Broadband Line in the subscriber’s house or
a Mobile Telephone Network. In the case of broadband line this could potentially be
an existing line already being used by the subscriber, or a dedicated line for Telecare
purposes. For a unit connected to the mobile telephone network, a dedicated SIM is
used to connect to the network and data is transmitted in the same way that a smart
phone connects to the Internet.
Agents in the alarm receiving centre can use the connection to the controller device to
speak to the subscriber, if required. This can be achieved using digital voice, similar
to technology used by services such as Skype or FaceTime. As with the analogue
model, the controller device can contain a speaker/microphone to allow this
conversation, or a dedicated speaker phone may be used. Given the higher data
capacity of the digital link between the subscriber and the alarm receiving centre, other
means of communication with the subscriber are possible, for example video calls
could also be held with subscribers where suitable screens/cameras are available.
Internet or Mobile Network
The digital communications link between the subscriber’s home and the alarm receiving
centre is most likely to be provided using a standard consumer Internet (broadband)
NHS24D3V3.0 Page 15 of 60 October 2015
service from one of a number of providers such as BT, Virgin, TalkTalk, Sky, etc. These
connections provide high speed, always on IP connections to the Internet.
As data from the subscriber’s home is carried over the public Internet it is likely that
data encryption will be used to maintain privacy. To ensure the security of the alarm
receiving centre, it is likely that security devices (firewalls) will also be used.
As an alternative to connections being carried over the Internet, it is possible that a
subscriber’s home could be connected to a Private Data Network. Under this
approach the organisation operating the alarm receiving centre (such as a Council)
would connect the subscriber’s home to a private network meaning that data is sent
directly to the alarm receiving centre, without it being carried over the Internet. This
type of connection, whilst more secure than the Internet connection, would attract
additional costs. In addition this approach would raise a requirement to ensure that
Telecare data was kept separate from data traffic from the wider corporate use of the
network. Issues such as PSN compliance for the corporate network are likely to be
considerations when developing these security arrangements.
As a further alternative approach, the connection to the subscriber’s home could be
provided over a mobile telephone network. This is particularly useful where a
subscriber does not have an existing telephone line or broadband service, or where a
connection is only required on a temporary basis. To use this method, the controller
device in the subscriber’s home would be fitted with a SIM card to allow it to connect
to the mobile network. The controller device would then use this mobile connection to
send data to the alarm receiving centre over the mobile network and the Internet (in the
same way that a smart phone browses the Internet). The data capacity of the mobile
telephone connection is dependent on the type and strength of signal available in the
subscriber’s home. The lowest data capacity would be provided by GSM/GPRS/EDGE
connections, with higher capacity being offered by later 3G and 4G generations of
mobile coverage. Note that 4G can potentially offer similar levels of data capacity to a
‘wired’ broadband service. Given Scotland’s geography mobile coverage and speed is
likely to be an issue in the more rural areas.
The Alarm Receiving Centre
In a digital model the ARC equipment will be very similar, if not identical, to that in the
analogue model as many modern systems already have the ability to accept inputs in
both forms.
NHS24D3V3.0 Page 16 of 60 October 2015
The main difference is that an analogue telephone switch is not required in the ARC as
there is no requirement for the system to answer analogue telephone calls. As
connections and conversations with subscribers are fully digital these can be handled
by the Telecare server itself.
3.3 Definition of Digital
It is important that the term ‘Digital’ is clearly defined prior to the report presenting the
extent to which it currently exists in Scotland, and how Telecare could further utilise
digital technology.
The example described in Section 3.1 presented a fully analogue system. In reality
organisations using a solution very similar to this can describe it as being partly digital,
because there are elements that are digital and manufacturers describe their solutions
as ‘digital’. Specific examples of Digital elements within Analogue designs include:
Alarm Receiving Solutions are often marketed as being digital, either because
they run on computer servers and software (which are inherently digital), or
because they can interface with digital/IP telephone networks, or other systems,
in the alarm receiving centre.
Instead of the alarm receiving centre connecting to the public telephone network
using analogue phone lines, ‘digital’ phone lines, such as ISDN30 (Integrated
Services Digital Network) can also be used.
As will be seen later in this report, the examples above do not deliver the benefits of
moving to digital Telecare and so there is a need to define ‘Digital’ in such a way to
distinguish between these ‘partly-digital’ elements within an analogue solution, and
‘true’ digital.
For the purposes of this study we define ‘Digital Telecare’ as follows:
A Telecare solution is considered to be Digital if it carries information end-to-
end, from sensor / monitor, to the Alarm Receiving Centre agent’s workstation /
telephone in a digital form without any conversion occurring. In technical terms,
this means that data will be carried end-to-end using Internet Protocol (IP)
format.
NHS24D3V3.0 Page 17 of 60 October 2015
4. Current Scottish Telecare Profile
4.1 Methodology
A key part of Product 1 is to establish the current status of the Alarm Receiving Centres
operated by, or on behalf of, public bodies in Scotland. The organisations that operate
ARCs are primarily Local Authorities or health partnerships and housing associations.
In some cases, multiple organisations operate an ARC in a given geography, and there
are examples of organisations sharing an ARC.
JIT/SCTT completed an audit of ARCs in October 2012 and found 19 ARCs operating
across Scotland1. To establish the current status of Telecare services, this audit
exercise was repeated by FarrPoint. The existing ARCs were sent a questionnaire that
sought to obtain information on the current positon, developments planned and
benefits/issues foreseen.
In order to explore the Digital aspects of Telecare, the questionnaire asked a range of
questions covering current status, particularly type of ARC (own or provided externally),
services offered, supplier, model of system, refresh cycle, capability to accept
digital/analogue alarms, number of lines and full time equivalent agents, number of
incoming calls, and others. The questionnaire also asked about plans to develop
additional services or transition to Digital.
The questionnaire was sent to 27 potential Telecare suppliers in June 2015. Contact
details for each of the organisations were provided by JIT.
The initial deadline for reply was 26th of June 2015, however due to limited responses
further reminders were made by email and telephone in order to attempt to increase
participation. Of the 27 bodies approached 22 replies were received (an 81% response
rate).
A summary of the organisations issued with a questionnaire plus response status is
contained in Figure 4.1.
1 “Alarm Monitoring and Response Services in Scotland”, Doreen Watson and Tony O’Sullivan, October 2012.
NHS24D3V3.0 Page 18 of 60 October 2015
Organisation Questionnaire Response Received?
Aberdeen City Council No
Angus Council Yes
Appello (formerly Careline ) Yes
Astraline No
Bield HA Yes
Communicare247 (formerly Argyll Telecoms ) Yes
Cordia LLP Yes
Dumfries & Galloway Council Yes
Dundee City Council Yes
East Ayrshire Council Yes
East Dunbartonshire Council No
East Lothian Council Yes
East Renfrewshire Council Yes
Edinburgh City Council Yes
Eldercare No
Falkirk Council Yes
Fife Council No
Hanover Telecare Yes
Highland Council Yes
North Lanarkshire Council Yes
Perth & Kinross Council Yes
Scottish Borders Council Yes
South Ayrshire Council Yes
South Lanarkshire Council No
Stirling Council Yes
West Lothian Council Yes
Western Isles Council Yes
Figure 4.1: Summary of Questionnaire Responses (source: FarrPoint)
The remainder of this section presents a summary of the key points obtained from the
responses.
Appello and Communicare247 between them serve around 200,000 subscribers.
However, these two organisations provide limited or no services for the Public Sector.
Given this, to avoid skewing subscriber numbers, etc., their responses are not included
in the some of the analysis in the remainder of this section.
NHS24D3V3.0 Page 19 of 60 October 2015
4.2 Summary of Current Telecare Provision in Scotland
Responses to the Telecare questionnaire were not received from all organisations, and
so it is not possible to state definitively how many organisations are delivering Telecare
in Scotland. However, the previous survey completed by SCTT/JIT in 2012 found 19
ARCs being operated for, or on behalf of Public Bodies in Scotland. Three
organisations not identified in the previous study responded to our questionnaire
indicating that they delivered Telecare services (The Highland Council, Scottish
Borders Council, Appello). If it is assumed that the previously identified 19 Telecare
providers continue to deliver Telecare services, then this leads to an estimate that
there are currently 22 organisations delivering Telecare services on behalf of
Scottish Public Bodies. There are a further four organisation who were not identified
as a Telecare provider in 2012 and have not provided a response to our questionnaire,
this means that the current Telecare providers could be as high as 26.
Using information obtained from the 2012 survey of ARCs, of the 13 public sector
owned/operated ARCs for which we received responses, it is estimated that 5 (38%)
are shared facilities that provide services to more than one organisation.
A summary of some of the key metrics captured from the responses received are
contained in Figure 4.2. As can be seen, the 20 ARCs serve a total of around 153,000
subscribers and receive approximately 4.0 million incoming Telecare alarm calls per
annum. These calls are handled using a total of 240 full-time equivalent agents (an
average of 12.8 FTE agents per ARC).
Organisation Full Time Equivalent Agents
Incoming Telecare Alarm Calls Per Annum
Number of Subscribers
Angus Council 10 N/A 2,700
Bield Housing 25 408,000 12,800
Cordia LLP 26 480,000 22,900
Dumfries and Galloway Council 8.31 145,519 3,900
Dundee City Council 16 179,000 6,000
East Ayrshire Council 22 220,000 4,000
East Lothian Council 13.5 171,000 5,500
East Renfrewshire Council 18 130,000 2,085
Edinburgh City Council 9 280,000 8,500
Falkirk Council 11 142,000 5,000
NHS24D3V3.0 Page 20 of 60 October 2015
Organisation Full Time Equivalent Agents
Incoming Telecare Alarm Calls Per Annum
Number of Subscribers
Hanover Telecare 24 882,000 42,000
Highland Council 2 48,000 5,582
North Lanarkshire Council 19 400,000 14,600
Perth & Kinross Council 4 79,000 3,450
Quarriers 7 N/A N/A
Scottish Borders Council 8 73,927 2,666
South Ayrshire Council 2 90,000 2,000
Stirling Council 11 158,060 3,882
West Lothian Council 13.5 177,868 5,000
Western Isles Council 6.6 22,700 870
Total 255.9 4,087,074 153,435
Figure 4.2: Summary of Key Metrics from Questionnaire Responses (source:FarrPoint)
4.3 Summary of Current Technology in Use in Scotland
Figure 4.3 summarises the ARC solutions currently in use by the organisations that
provided a response.
ARC Solution Number of ARCs
Tunstall PNC5 1
Tunstall PNC6 5
Tunstall PNC7 1
Tunstall (version not stated) 5
Chubb Saturn 3
Jontek 3G 2
Others 3
Figure 4.3: Summary of ARC Solutions Currently in Use in Scotland (source:FarrPoint)
The results show that most organisations are using Tunstall ARC equipment, either
PNC5, PNC6 or PCN7 (the latter being the latest software release from Tunstall).
There are also systems from Chubb and Jontek in use.
All of the ARC solutions in use allow third party monitors/sensors from a range of
manufacturers to be used, although some technical limitations do apply. From the
questionnaire results, a small majority of ARCs use monitors/sensors from various
manufacturers, with others exclusively using a single supplier (Tunstall).
NHS24D3V3.0 Page 21 of 60 October 2015
Manufacturers of monitors/sensors include:
Tunstall;
Tynetec;
CareTech;
Possum;
Just Checking;
Buddi;
Chubb.
Of the above, the most widely used is Tunstall.
The sensors provide a wide range of monitoring including, but not limited to: community
alarms, Telecare responders, gas, flood, CO2 and bed monitors, door contacts,
incontinence monitors, temperature sensors, fall detectors, automated key safes,
intruder, fire, panic and lone worker alarms.
The frequency with which monitors/sensors are replaced by ARCs varies, although
most replace equipment as batteries expire or equipment fails. This means that
equipment is typically replaced every 5-10 years.
The majority of sensors/monitors are analogue devices. In addition to these there are
some digital devices in use, for example Just Checking, Safer Walking GPS devices,
CCTV monitoring, etc. These devices tend to be provided using solutions separate to
the main ARC solution (i.e. they are standalone solutions).
4.4 Current Use of Digital Telecare Solutions in Scotland
None of the public bodies that provided questionnaire responses stated that their ARC
was digital. From examination of the questionnaire responses, FarrPoint concurs that
at present no Scottish ARC meets the definition of Digital Telecare.
There are some examples of digital technology being used at some ARCs, however,
these tend to be small-scale applications that are not integrated into the main ARC
solution. Other than these small-scale digital deployments, all current Scottish ARCs
are wholly analogue solutions.
Eight of the responses received stated that organisations had ambitions to move to
digital solutions. Of these, East Lothian and Falkirk Councils are beginning the
procurement process for replacement ARCs and are actively considering digital/ hosted
solutions.
Although not directly relevant to this public sector ARC analysis, it is interesting to note
that two of the private sector ARCs that provided responses (Appello and
NHS24D3V3.0 Page 22 of 60 October 2015
Communicare247) either partially or wholly meet our definition of a digital Telecare
solution. Appello operates a hybrid solution able to accept connections via either
analogue or digital technology whereas CommuniCare247 only accepts digital IP
signals.
NHS24D3V3.0 Page 23 of 60 October 2015
5. Case Studies
In this section we present an overview of a number of Case Studies demonstrating how
alarm receiving centres currently operate in Scotland and how digital technology is
deployed in Telecare elsewhere.
The Scottish examples are from City of Edinburgh Council and Bield Housing,
representing two of the largest Telecare operations nationally in the public sector.
The example of a digital solution is from Sweden, recognised as having one of the most
advanced Telecare deployment’s in Europe.
5.1 City of Edinburgh Council
City of Edinburgh Council operates a 24x7 alarm and response service manned by
Council staff for a subscriber base of 8,500 individuals within the city.
As part of the Council’s “Technology Enabled Care” service, the ARC works with a
response team who visit subscribers’ homes where required. The Council also has a
team responsible for the installation and maintenance of Telecare equipment in
subscribers’ homes.
The Council uses a JonTek ARC and a standardised range of Telecare
monitors/sensors in subscribers’ homes, from Possum, Tynetec and Chubb. In
addition to home-based monitoring, the Council offers a geofencing service, although
this service is operated on behalf of the Council by Bield Housing.
The Council’s ARC receives 300,000 calls per annum and in 2014/15 9,000 of these
calls resulted in a requirement for the response team to visit the subscriber’s home. Of
these visits, approximately 200 resulted in an unscheduled hospital admission.
47% of subscribers pay for their Telecare service themselves, with typical costs
between £300 and £400 pa including installation and operation. Subscribers also
provide their own telephone line. In addition to providing Telecare services for its own
subscribers, the Council also provides services for a number of housing associations
with properties in the city.
NHS24D3V3.0 Page 24 of 60 October 2015
The ARC is staffed by dedicated agents with numbers varying during the day. During
the peak call period (0700-1000), there are typically two agents taking alarms/calls,
and another two agents calling subscribers in response to inactivity alarm triggers.
In the event of an alarm being triggered, or unusual activity being noticed, the ARC
agents can schedule a visit from the response team, or alternatively can call the
subscriber’s GP, or a family member.
The ARC has performance targets for the time taken to answer an alarm call. These
are based on the Telecare Services Association standard that all calls are answered
within 60 seconds. In addition to this, the Council has a target of 45 minutes for its
response team to attend at a subscriber’s home in the event of an alarm call requiring
a visit.
Communications between the ARC and subscribers’ homes are currently exclusively
analogue and almost all use subscriber’s existing analogue phone lines. There are a
small number of deployments that use mobile/GSM connections to cover scenarios
where subscribers do not have a phone line or where Telecare is being installed on a
temporary basis. An ISDN30 connection is used to deliver calls to the ARC.
The Council has recently upgraded its ARC software to provide the ability to interface
with digital connections, although this functionality is currently not in use. The Council
currently has no plans for a digital migration of its services
The ARC operates on a standalone computer network, separate to that used by the
rest of the Council. The Council has a standby ARC located in a separate location to
be used in the event of its primary ARC becoming inoperable.
The performance of the Telecare solution is generally very good, however, there have
been reports of some issues relating to the audio quality of some calls and also of the
reliability of calls made where subscribers use telephone providers who have 100%
digital core networks (e.g. Virgin and TalkTalk). However, neither of these are seen as
a significant issue and had largely been overcome.
NHS24D3V3.0 Page 25 of 60 October 2015
5.3 Bield Housing
Bield Housing Association operates a 24x7 alarm and response centre under the name
Bield Response 24 (BR24). The service has a subscriber base of 12,800 individuals.
This comprises subscribers living in Bield’s supported housing and subscribers who
are provided with services by Bield on behalf of a number of local authorities and other
housing associations.
The service handles an average of 50,000 calls per month; 30,000 of these being
incoming alarm calls and 20,000 outgoing calls. The ARC does not have a response
team of its own; in the event of an alarm call being received that requires a visit to a
subscriber’s home the ARC calls either the warden (in the case of the subscriber being
a Bield resident) or the appropriate Council / housing association.
In addition to providing Telecare services, Bield also offer other services for its
subscribers and third parties such as:
Lone worker protection;
Out of hours housing repair requests;
Geofencing;
“Sure call” voice broadcasting.
This latter ‘Sure Call’ service has resulted in a significant reduction in the amount of
agent time that is spent making calls to subscribers. The service makes automated
calls, or sends text messages, to subscribers, for reassurance calls, or to remind to
take medication. Agent intervention is only required where a subscriber does not
answer a call, or responds requesting a callback. Bield estimates that this feature has
reduced the amount of staff time spent on this type of call from 70 hours to 35 minutes
a day (a development manager in each of 70 developments previously spent an hour
a day manually calling each resident, a review of residents needing this service,
combined with the automation of calls has reduced the time required to 35 minutes
total).
The service uses the Jontek 3G digital alarm receiving centre and a range of subscriber
equipment from Tunstall, Tynetec, Chubb and Possum. All monitors/sensors connect
to the alarm receiving centre using analogue telephone lines, although some alarms
are also equipped with GSM connectivity for backup alarm continuity (although GSM
NHS24D3V3.0 Page 26 of 60 October 2015
offers digital connectivity this is not used, instead the solution makes a dial-up call and
sends analogue tones over the connection). At the ARC, connectivity is currently
provided using 32 analogue telephone lines, however, there is currently a project
underway to replace these with a single ISDN30 in order to reduce costs and improve
sound quality on calls.
Bield is currently coming to the end of a five year systems and processes review. The
conclusion for future development of its systems is that everything must eventually
move to digital given the additional features this will provide. However its subscriber
base is not yet ready for that step and it is Bield’s opinion that there is a generational
gap between those subscribers who would use the new features and those who would
not. This aligns to a certain extent with their equipment refresh policy of 5-10 years.
When BT started developing its 21st century network in the early 2000s, Bield Housing
upgraded all its social alarms to work on digital networks. This upgrade did not
implement fully digital alarms but retained analogue alarms that could communicate
over the new digital networks.
Bield are considering a development in consultation with the Scottish Fire and Rescue
Service for remote control and reset of fire alarm panels in its housing complexes. The
aim of this initiative is to be able to reset the panel to normal operation after an alarm
and the attendance by the Fire and Rescue Service. This is due to a change in policy
by the Fire and Rescue Service in that it will no longer perform the fire panel reset and
instead requires the system owner or system maintainer to do so. It is highly likely this
development will require IP connectivity from Bield’s ARC to the fire panels in its
complexes.
Bield also has another potential use case for digital in its housing complexes in the
form of video cameras in common areas and lift entrances. These would reduce the
number of false alarms from pull cords as currently these require attendance by
wardens, which can lead to delay in response.
Bield has no firm plans for upgrading its Telecare system to digital technology.
NHS24D3V3.0 Page 27 of 60 October 2015
5.4 Sweden’s Experience of Digital Telecare
Sweden is seen as a leading country in Europe for Telecare, both in terms of the take-
up of the service, and the use of digital technology in delivery. There are currently
220,000 Telecare subscribers in Sweden, of which 40,000 have transitioned to digital.
Social alarms (Telecare) became widespread in Sweden in the late 1980s as part of a
larger plan to make social care preventive, rather than reactive.
The deployment was initially based on the same sort of analogue technology as
currently used in the UK. However, in 2007, Sweden’s largest telecoms provider,
TeliaSonera, published its long term plans to decommission the analogue exchange
lines and replace them with bundled broadband and voice over IP packages.
As part of this upgrade, TeliaSonera was also completing a process of upgrading its
core network to become a “next generation network (NGN)” using IP based technology.
This change generated concern from the Telecare industry as social alarms had not
been designed to operate over these networks. In 2007 the Swedish media started
reporting that the NGNs were having an adverse effect on social alarms, when a 76-
year old man died 9 hours after a heart attack because his social alarm failed to connect
via his telephone. The fact that the new infrastructure could not reliably support
analogue based social alarms became a matter of public concern.
Public pressure, and the planned decommissioning of analogue exchange lines,
prompted the government to start a programme to digitise social alarms and adapt to
the new digital telecoms infrastructure.
An initial step changed the connectivity in subscribers’ home from using an analogue
phone line to GSM. However, this was found to be unreliable and so a true end-to-end
digital connection method was sought.
As there was no standard technical protocol for digital social alarms (using IP), Sweden
took the lead in developing an open and secured protocol for data transmission over
the Internet called Social Care Alarm over IP (SCAIP) based on existing open Internet
standards. The protocol was designed to accommodate both speech and alarm
message codes and was completely open thus allowing manufacturers to develop their
alarm controllers to this common standard.
NHS24D3V3.0 Page 28 of 60 October 2015
Key advantages of the SCAIP protocol include the fact that alarm calls can be made
even if the subscriber’s phone is in use. The protocol also includes a regular exchange
between the controller and the ARC every minute to ensure that the connection
remains active and that issues such as equipment or power failure can be detected.
This connection also allows real time statistical analysis to be conducted by the ARCs.
The project has concluded that modern IP based social alarms have a 99.9% uptime
when connected to a GSM network.
It should be noted that the SCAIP protocol currently only addresses the connection
between the controller and the ARC. Within a subscriber’s home, sensors/monitors
are still analogue and so suffer from some of the associated limitations of this
technology.
Figure 5.1: SCAIP Protocol (source: FarrPoint)
Sweden’s Telecare services are provided by the 290 local municipalities, with the
government being responsible for providing centralised advice and services. Following
the development of the SCAIP protocol, a framework contract was let for a range of
suppliers to provide equipment and services using the protocol. A total of 253
municipalities signed up to use this framework.
The scope of the framework was for suppliers to provide subscribers with the
equipment and services they required to allow them to use Telecare. This included the
Telecare equipment and the connection to the subscriber’s house, using one of a
number of GSM or fixed broadband providers. The suppliers on the framework retain
ownership of the Telecare equipment, and as they are responsible for providing the
Alarm Receiving Centre
Subscriber s Home
Analogue
Sensors /
Alarms
Controller
Device
Analogue
Wireless
Connection Telecare
System
Server
Local Area
Network Agent PC
Agent
Telephone
AgentInternet
or
Private Network
Broadband
RouterMobile Telephone
Network
SCAIP Protocol
NHS24D3V3.0 Page 29 of 60 October 2015
connection to the subscriber’s home, this means that they retain full responsibility for
resolving any issues with the Telecare service provided to a subscriber. Currently
40,000 Digital Telecare solutions have been deployed, with the rollout planned to
continue until the end of 2016. The initial focus of the digital Telecare rollout has been
on subscribers in rural areas as the Swedish telecoms provider is decommissioning
analogue exchange lines in these areas first.
As part of the Swedish Government’s framework contract, two call centres were also
procured and municipalities are able to choose to have their subscriber’s calls
answered by these nationally provided call centres. Currently 165,000 subscribers’
Telecare solutions (75% of subscribers) are monitored from these national centres.
Subscribers have not experienced an increase in service costs since the transition to
digital began as installation costs are covered by the local municipality. They also cover
the cost of the alarm and controller unit and loan it to the subscriber for the duration of
their subscription. Service costs vary with a typical subscriber paying an average of
100kr (approximately £9.00) per month.
As a result of the shift to digital technology the Swedish Health Institution are carrying
out a number of trials to test more advanced methods of Telecare including video
monitoring of vulnerable subscribers, and video calling. However, it is noted that this
facility is provided on a separate standalone system, rather than using the digital
Telecare solution given the limited bandwidth currently supported on the digital
solution.
The digital Telecare technology potentially allows information from subscribers to be
shared more easily with a range of public bodies, although legal considerations mean
that this has not yet progressed past a number of small-scale trials.
NHS24D3V3.0 Page 30 of 60 October 2015
6. Market Direction and Technology
6.1 Telecare Equipment and Service Suppliers
In this section we provide a high level overview of the market for Telecare equipment
and service suppliers. Although a number of suppliers are mentioned below, this
section does not aim to provide an exhaustive analysis of all suppliers in the
marketplace. In addition, we have deliberately avoided discussing detail on specific
supplier’s equipment/services and plans in order to avoid issues of commercial
confidentiality.
There is a well-developed infrastructure for social alarm services in the UK provided
by housing associations, local councils and private sector companies. The majority of
local councils provide a social alarm scheme run by themselves or outsourced to a
private sector organisation, however there is also a significant private subscriber
market who receive alarm services directly from a private sector service supplier.
Social alarm services are provided to those living in sheltered and ordinary housing.
As detailed in Section 4.3, alarm receiving centres in Scotland currently use ARC
systems from one of three suppliers: Tunstall, Jontek, and Chubb. Some of these
suppliers also manufacture controllers and sensors/monitors, whilst some only provide
the ARC solution alone. All the ARC systems support, to differing extents, the
connection of controllers and sensors/monitors from third party manufacturers. Within
Scotland it was found that controllers and sensors/monitors from a range of
manufacturers was in use, including:
Tunstall;
Tynetec;
CareTech;
Possum;
Just Checking;
Buddi;
Chubb.
The choice of which controller and sensor/monitor is used for a particular requirement
is dependent on compatibility with the ARC solution and cost. Aesthetics of the in-
home/wearable devices also seems to be a factor that is becoming increasingly
important to subscribers.
NHS24D3V3.0 Page 31 of 60 October 2015
Although often marketed as being ‘digital’, current ARC solutions vary in their
‘readiness’ to accept digital connections from subscribers’ homes. None of the
solutions deployed in Scotland currently accept digital connections, and the degree of
upgrade required to allow this to happen varies. Some older ARC solutions will require
both software and hardware upgrades before they can commence the shift to digital,
whereas some more modern solutions may require only a relatively minor software
upgrade. There are solutions in the marketplace that support existing digital standards,
such as the SCAIP protocol used in Sweden, where Neat and Caretech provide most
of the equipment, however we found no current use of this technology in Scotland.
Further detail on this digital technology change process will be provided in the results
of Product 2 of this study.
Suppliers of both ARC systems and subscriber equipment are aware of the likely shift
to digital technology and many are actively developing solutions to address this
requirement. Similar to the experience in Sweden, initial efforts appear to be based
on digitising the connection between the controller and the ARC solution, initially with
these devices talking to existing analogue sensors/monitors. However, suppliers are
also looking at the shift of sensors/monitors to digital using wireless technologies such
as Wi-Fi, Bluetooth, and ZigBee.
The advantages of a shift to digital technology include:
a significant improvement in both responsiveness and reliability of the
connection between controller and the ARC;
digital sensors/monitors can be regularly polled by the ARC to ensure that they
remain connected and functional;
an increase in the range and sophistication of sensors/monitors that can be
connected;
an increase in the range of applications and services that can be offered using
the Telecare solution, including Telehealth applications and services.
Although the reason for the current lack of digital solutions in the marketplace can be
open to debate, some suppliers highlighted the lack of demand from Telecare
providers for digital technology. Other factors constraining the development of digital
Telecare include:
no existing British or EU standards for IP Telecare products;
NHS24D3V3.0 Page 32 of 60 October 2015
current analogue technology is both mature and stable;
penetration of fixed and mobile broadband in Scotland (and the UK) does not
yet match that of analogue phone lines;
Limited penetration of Internet technologies amongst existing Telecare users
(e.g. broadband and smart devices) with an associated lack of knowledge and
confidence in using these.
Telecare suppliers are increasingly able to offer varying deployment models based on
cloud (or hosted) solutions. Deployment models can vary: some offer a solution where
the supplier provides the customer with access to a hosted Telecare solution, with calls
still being routed to the customer’s own agents. Alternatively a fully outsourced model
could be used where the supplier answers the calls and alarms on the customer’s
behalf.
This hosted deployment model is primarily marketed on the efficiency and cost savings
it offers. Hosted solutions provide services for a range of customers and so the costs
are spread over a number of organisations, rather than falling wholly to an individual
body. Where a call/alarm answering service is procured, the model can also offer
efficiencies in terms of use of agents’ time, particularly overnight when the number of
alarms/calls are lower.
6.2 Social Alarm Standards and Protocols
Historically, Telecare manufacturers have utilised their own proprietary
communications protocols, resulting in minimal interoperability from one system to
another. BSI standard BS7369 was developed to overcome this and provide a
signalling protocol to support the exchange of information regarding source and cause
of the alarm between the alarm controller and the ARC. The introduction of next
generation networks in the UK led to BS7369:1991 being declared obsolete by BSI.
The current standard protocol for Telecare in the UK is BSI standard BS8521:2009
which defines how alarm and identification data is sent over analogue telephone lines
using Dual Tone Modulation Frequency (DTMF). BS8521:2009 also defines additional
security and safety features such as remote door lock release. BS8521 is largely the
same as BS7369 but includes an amendment to the timing used by analogue signalling
protocols in order to allow them to more reliably communicate over telecom providers’
NHS24D3V3.0 Page 33 of 60 October 2015
next generation networks. Other standards define regulated radio frequency bands for
wireless analogue alarms (EN 300 220-2) and equipment performance (EN50134).
The Telecare Services Association uses the EN50134 series of standards as the basis
of its accreditation regime.
Sweden was one of the first countries to develop a standardised open protocol for IP-
based Telecare (SS91100:2014) named the Social Care Alarm over IP (SCAIP)
protocol. It was developed to provide an open, completely transparent, non-proprietary
standard able to be used worldwide. The protocol is based on Session Initiation
Protocol (SIP) which sets up a session in which voice, media and information can be
streamed between the alarm controller and the ARC. It was published by the Swedish
Standards Institute in 2014 and is currently being used in a high proportion of alarms
in Sweden. This is set to increase as the transition from analogue to digital matures.
In the UK, the working group that developed BSI standard BS8521:2009 has continued
development of Telecare communications and a new protocol for Telecare over IP has
been developed: NowIP. The NowIP whitepaper was finalised at the end of 2012 and
testing concluded that it will successfully operate over the UK telecommunications
infrastructure. Currently, manufacturers Tynetec, Jontek, Verklizan and Green Access
have tested the standard between their systems.
NowIP is a protocol that has been developed by the industry, but it is not currently an
agreed standard. SCAIP is a Swedish standard, but has not yet been adopted as a
standard elsewhere. This means that there is currently no UK or European standard
for IP based Telecare. A European standard working group, led by representatives
from Sweden, has been established to develop a European standard for IP Telecare,
however, at present, the timescales for this standard being developed are unknown
and it is thought unlikely that the standard will be available in the next three years.
6.3 Telecom Providers
As detailed in the previous Section, one of the key drivers behind Sweden’s shift to
digital Telecare was the decision by the country’s largest telecom provider to move to
digital connections to the home.
NHS24D3V3.0 Page 34 of 60 October 2015
Bell Labs conducted research into PSTN Industry and Service Provider Strategies for
BT in 20132. An overview of the findings states that:
“When considering wireline voice services only, the business case for large
SPs [Service Providers] may not justify retiring PSTN assets and moving
subscribers to next generation networks; revenues from triple-play or
broadband access must be considered in order to justify the case to move a
subscriber. This financial balance will change in the future as PSTN platforms
approach End of Life (EoL) and operational expenses per subscriber line
increase. For small SPs whose footprint in the telecom market is dominated by
data and wireless services, the business case may already indicate that
turndown of PSTN would be beneficial.
Migration to next generation Broadband is seen as an inevitable end state, due
to PSTN technologies reaching eventual EoL. In addition, PSTN subscription
rates for most Providers are in decline as subscribers move their service to
voice over broadband or mobile solutions. However, PSTN shutdown is not
expected to happen in most regions until approximately 2020 or beyond.”
Bell Labs, PSTN Industry Analysis and Service Provider Strategies: Synopsis,
April 2013.
This analysis suggests that the decommissioning of the analogue PSTN is likely in the
medium or long term, however, there are currently no firm plans from BT to start the
decommissioning process.
Ofcom undertakes a Digital Communications Review3 every 10 years, and
commencement of the latest review was announced in March 2015. There have been
media reports4 that as part of this review, BT is seeking a relaxation of its existing
obligation to provide analogue telephone services UK wide.
2
http://www.btplc.com/Thegroup/RegulatoryandPublicaffairs/Consultativeresponses/Ofcom/2013/NarrowbandMarketReview/BellLabsAnalysisforBT-PSTNIndustryAnalysisandServiceProvider.pdf 3 http://stakeholders.ofcom.org.uk/telecoms/policy/digital-comms-review/ 4 http://www.telegraph.co.uk/finance/newsbysector/mediatechnologyandtelecoms/telecoms/11696314/BT-aims-to-shut-down-traditional-phone-network-to-help-it-battle-US-tech-giants.html
NHS24D3V3.0 Page 35 of 60 October 2015
As the review is currently in the initial consultation stage, with next steps published at
the end of 2015, the outcome will not be known in time for inclusion in this report. It
should be noted that even if BT is allowed relaxation of its analogue service obligation,
the shift to digital lines is still likely to take many years to complete.
To deliver digital Telecare a broadband connection is required to a subscriber’s home.
This broadband can either be fixed (i.e. DSL or cable broadband) or delivered using
wireless (i.e. connecting to a mobile telephone network). Although figures for
broadband availability in the UK are extremely high, many of the remaining areas
unable to obtain broadband, or obtain high speed broadband services, are in Scotland.
The Scottish Government and Highlands & Islands Enterprise are currently completing
projects to improve the speed and availability of broadband services. However, in the
short/medium term obtaining access to broadband services capable of supporting
advanced Telecare / Telehealth services is likely to remain an issue in some areas of
Scotland, particularly in remote/Island communities.
NHS24D3V3.0 Page 36 of 60 October 2015
7. The Potential Benefits of Digital Telecare
7.1 Methodology
In gathering information for Product 1, FarrPoint conducted a number of interviews with
stakeholders within, and working with, the health and social care sector. These
included local authorities, housing associations, NHS, Telecare equipment/service
vendors and standards bodies. Whilst not exhaustive, a wide range of opinion was
sought and experiences collated. Appendix B contains details of the individuals and
organisations that were consulted during the exercise.
In measuring the benefits of digital Telecare, two primary areas were explored:
The benefits digital technology will provide;
The wider benefits (Telehealth and others) that could be facilitated.
Consultees’ responses to the above areas of investigation are detailed in the remainder
of this section, along with FarrPoint’s findings from desk based research.
It should be noted that the purpose of Product 1 of the feasibility study is to identify the
potential benefits of a shift to digital Telecare. The value, or otherwise, of these benefits
is examined in the cost benefit analysis exercise completed as part of Product 2.
Therefore, all potential benefits are presented without qualification.
In order to group the benefits, a number of key themes are presented, each of which
are examined separately over the remainder of this section:
Reliability – Potential benefits relating to improving the reliability and quality of
Telecare services, or ensuring the continuity of Telecare;
Efficiency – Potential benefits relating to improving the efficiency of Telecare.
These relate both to efficiencies gained through improvements in delivery
methods and utilising increased sharing of information/partnership working to
broaden services;
Additional Functionality – Potential benefits obtained by using digital
technology to deliver new Telecare functionality and services;
Telehealth – Potential benefits obtained by using digital Telecare technology
to support the delivery of Telehealth services.
NHS24D3V3.0 Page 37 of 60 October 2015
The following sections examine the potential benefits within each of these key themes.
The potential benefits identified are summarised in Appendix C, it is this list that will be
used as the basis of the cost benefit analysis completed in Product 2 of this study.
7.2 Potential Reliability Benefits
The Telecare industry has come to expect high standards of reliability with the use of
very mature and relatively simple analogue technology. In recent years the introduction
of IP in telecommunications providers’ core networks has introduced reliability issues,
caused by the conversion of analogue signals to digital and back again. ARCs have
reported instances of calls failing and having to redial as a result of problems with the
quality of the DTMF signals received at the ARC. A digital Telecare solution does not
use analogue signalling and so the use of an end-to-end digital Telecare solution
would remove the issues associated with the conversion of signals across
provider networks.
Some ARCs have reported that audio quality can be poor on calls using analogue lines.
Some ARCs are replacing the analogue lines connecting to their systems with ISDN
lines, but these still rely on analogue lines into subscribers’ homes and require multiple
conversions of voice information. The use of a digital Telecare solution would carry
calls end-to-end in a digital format and so could result in improved voice quality
for both the ARC agent and subscriber. It is also possible to provide “High
Definition Audio” via a digital connection providing more enhanced clarity.
Analogue Telecare solutions can only notify an alarm if they can make a phone call to
the ARC. If the phone line in a subscriber’s home is in use, either because the
subscriber is already making a call, or because the phone has been accidently knocked
‘off hook’, then the Telecare system is unable to alert. This issue is particularly relevant
to sheltered housing complexes which traditionally rely upon a central controller with
sensors deployed in several residents’ dwellings. This controller is often connected to
a single phone line which means that only one resident’s requirements can be dealt
with at a time. An example of this would be if one resident in sheltered housing had
activated an alarm call for a reassurance-type (i.e. less-urgent) conversation with an
ARC agent which would tie-up the phone line for its duration. If a more urgent alarm
from another resident was triggered while the first call was in progress, then the ARC
would be unaware of this. Digital Telecare solutions can notify the ARC of alarm
conditions even when a subscriber’s phone line is engaged or a call with the
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subscriber is in progress. Digital Telecare solutions can also notify the ARC of
multiple alarm conditions simultaneously (particularly relevant to sheltered
housing and other multi-resident situations).
At present, sensors/monitors in subscribers’ homes connect to the Telecare controller
via analogue technology (mostly by radio, but also sometimes via wired connections).
This allows only for very basic communication between the devices. Note that this is
the case even with the current deployment of digital Telecare in Sweden where, despite
the link between controller and ARC being digital, the communication between the
controller and the sensors/monitors in the home still uses analogue technology.
Typically, a sensor/monitor will contact the controller when it has been triggered, or in
some cases to signal that its battery level is getting low. This limited communication
with sensors/monitors means that there is very limited visibility of these devices from
the controller/ARC. If the controller/ARC does not receive any signals from a
sensor/monitor then it is not known whether this is because the sensor/monitor is
operating correctly, and merely has nothing to report, or because the sensor/monitor is
incorrectly configured or has failed completely, and so is not able to signal an alarm
state.
There have been examples of fatalities as a result of failures or misconfigurations of
sensors/monitors that have not been detected by the controller or ARC, including an
example in Inverness in 20135 6. The use of digital sensors/monitors would allow
regular, two-way, and more detailed communication to be completed with the
controller device. This would allow the controller to regularly check that
sensors/monitors were still operating correctly, allowing device failures to be
quickly identified. In a similar fashion to the communication between the controller
and sensors/monitors, the digital connection between the controller and the ARC
would allow the ARC to complete regular checks that the controller is operating
correctly. This is the approach that is currently implemented on the digital Telecare
devices in Sweden where controllers are ‘polled’ every minute to check that they are
operating correctly. Moving to a digital connection end-to-end between
sensor/monitor and ARC, provides the ARC with visibility of the system’s overall
health. Additional benefits of this would be: allowing the ARC to check that a
sensor/monitor was visible and thus operating correctly following its installation, (whilst
5 http://www.heraldscotland.com/news/13122250.Death_leads_to_Telecare_review/ 6 http://www.inverness-courier.co.uk/News/Review-for-failed-fire-alarm-system-13092013.htm
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staff are still on-site); and regular audit by the ARC of the equipment deployed in
subscribers’ homes.
BT have stated their plans to eventually decommission analogue phone lines in parts
of the UK due to the decreasing demand for the service as well as the analogue network
technology reaching its end of life. As stated earlier in this report, it is not clear when
BT will be permitted to start this process, however, a shift to digital would ensure
that Telecare services were unaffected by the future decommissioning of
analogue phone lines.
7.3 Potential Efficiency Benefits
Current analogue Telecare solutions can only support a limited degree of flexibility in
how alarm calls into the ARC are routed and shared. This is due to the fact that calls
come into the ARC on analogue (or ISDN) phone lines meaning that the only way to
send calls to an alternative location is by redirecting these calls to another phone
number. This approach is complex, inflexible, time-consuming, and costly. There are
a number of scenarios when ARCs may have a requirement to redirect calls to another
number, for example in a disaster recovery scenario when a power or equipment failure
at the ARC means it becomes inoperable.
The shift to digital Telecare means that there is a high degree of flexibility in how
alarm calls are routed and shared. All signalling and calls between the subscriber’s
controller and the ARC are carried over a data network, potentially the Internet. This
means that any location with a network connection and suitable equipment could
potentially act as an ARC. There are a number of scenarios where this could offer
potential benefits:
Using the example above, digital Telecare could increase ARCs’ ability to
cope with Disaster Recovery. In a disaster situation, where an ARC became
inoperable, calls could be redirected to another location relatively easily. This
could be an alternative location operated by the Telecare provider, or in order
to avoid the cost and complexity associated with each Telecare provider
maintaining a standby ARC facility, it would be possible for Telecare providers
to put reciprocal Disaster Recovery agreements in place meaning calls were
routed to each other in the event of system failure.
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The increased flexibility in call routing could allow calls to be routed
intelligently based on factors such as time of day and call volumes. This
kind of intelligent call routing is already used extensively within a wide-range of
call and contact centres, including in the public sector.
Intelligent call routing could be used to redirect calls overnight, a period when
call volumes are generally lower, to an alternative location. This alternative
location could be an ARC that acts on behalf of a number of Telecare providers
to handle overnight calls. This arrangement would mean that each of the
Telecare providers would no longer need to maintain an overnight staffing of
agents.
Intelligent call routing could also be used to allow ARCs to cope with
unexpected peaks in call volumes. In the event of an unexpected peak, calls
that could not be handled by the ARC could overflow to an alternative location.
This could be other staff (non-agents) within the Telecare organisation, or to an
alternative ARC.
Increased flexibility in call routing would more easily allow the number of
ARCs to be reduced. The flexibility introduced by digital technology means
that there is no technical limitation to the location of the ARC relative to the
location of subscribers and that calls could easily be redirected to an alternative
location if required. It is estimated that there are currently 22 ARCs in Scotland.
The 13 ARCs providing services for public bodies that responded to our
questionnaire were collectively serving nearly 69,000 subscribers. It is not
possible to extrapolate from this to produce an estimated figure for Scotland,
however, the figure for the 13 ARCs alone is informative when compared with
the fact that in Sweden two ARCs serve 200,000 Telecare users. This suggests
that from a purely technical perspective there is scope for consolidation of alarm
centres in Scotland. Consolidating alarm centres would offer benefits in that
less ARC equipment would be required and improved efficiencies in the
utilisation of agents could be realised. The level of efficiencies that could be
obtained from consolidating ARCs would need to be balanced against ensuring
that Telecare services were resilient and addressed any requirements where
particular local knowledge was required.
It should be noted that digital Telecare is not a prerequisite for consolidating
alarm centres, however consolidation is easier to achieve with digital
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technology. Consolidation could be achieved with existing installations,
although there are a number of challenges associated with this, given the need
to re-programme large numbers of residential devices, and deal with increased
call charges. Using the example of Sweden serving 200,000 subscribers from
two ARCs, only 40,000 of these subscribers are using digital technology
(between the ARC and controller unit).
Similar to the flexibility in routing alarm calls, the shift to digital Telecare means there
is a high degree of flexibility in where ARC equipment is located and who uses
it. This flexibility supports a number of options relating to the location of equipment
and agents. It is likely that this potential benefit would be implemented in conjunction
with some of those listed above relating to call routing. Some examples of where this
flexibility could provide potential benefits are:
If connections between all of the ARC system’s components are digital, then
they do not need to be co-located. Within a Telecare provider’s organisation
this means that ARC agents do not need to be co-located, potentially
meaning that a dedicated Telecare facility is not required. Agents could be
located across a number of locations, or even potentially be home-based if this
better suited working patterns.
An alternative application of this flexibility is the potential for a number of
Telecare providers to share ARC equipment and so reduce costs. As an
example, two (or more) ARCs could jointly procure an ARC solution to be
installed at a single location. Each Telecare provider would operate a service,
but each of the ARCs, and their agents, would utilise a shared set of equipment.
A further variation on the above example is where Telecare providers no
longer need to procure their own ARC equipment and instead procure
their ARC as a cloud hosted service from an external supplier. Under this
model, ARC equipment would be procured and operated by a commercial
supplier, and would be physically located in a facility owned by, or operated for,
that supplier. Telecare providers would still maintain a Telecare centre staffed
by their own agents, but these agents would connect, over the Internet or
private network, to ARC equipment provider by the external supplier. The
external supplier would use the ARC equipment to deliver services to multiple
Telecare providers. Telecare providers would no longer need to procure and
maintain their own equipment, and would instead shift to a revenue based
NHS24D3V3.0 Page 42 of 60 October 2015
approach for paying for Telecare services from the supplier. We are aware that
a number of Scottish Local Authorities are currently investigating this delivery
approach as it may reduce their operating costs by leveraging economies of
scale.
Another implementation of a cloud hosted service, which take the shift of
responsibility to the supplier a step further, is where Telecare providers opt to
fully outsource responsibility for providing ARC equipment and operating
the ARC to an external supplier. In this model the supplier would be
responsible for answering alarm calls from subscribers. The Telecare provider
would be contacted by the supplier in the event of some form of on-site or other
response being required.
The above scenarios addressed ARC implementations based on cloud hosted
deployments. However, even if this approach is not taken and Telecare providers still
opt to use an in-house model where they procure and maintain their own ARC solution,
digital Telecare may offer some potential additional efficiencies.
Digital Telecare solutions are likely to run on a similar range of equipment to a number
of other core corporate IT applications. This means that there is potential for the
digital Telecare solution to share or utilise elements of an organisation’s existing
IT infrastructure. Examples of this could be the Telecare solution running on an
organisation’s existing virtualised servers, or utilising an existing IP telephony / contact
centre solution to deliver calls to agents.
The IP technology that would be used by digital Telecare systems is now very mature
and commonplace in businesses and residential settings, as it is based upon open
standards which facilitate innovation and competition. There is also work underway to
develop EU standards for digital Telecare systems. The fact that digital Telecare
solutions will use mature technology and established standards is likely to
increase competition in the marketplace, and so reduce equipment costs. The
use of published standards, rather than proprietary protocols will mean that Telecare
equipment from suppliers will be compatible allowing Telecare providers to mix and
match different supplier’s equipment as the need arises.
Current analogue Telecare solutions are only able to deliver the outputs from
sensors/monitors to a single location (the ARC). Digital Telecare solutions have the
ability to deliver sensor/monitor outputs to multiple or different locations. This
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could allow, for example, sensor/monitor output from a subscriber’s home (either all or
selected devices) to be sent to the ARC and another location (the subscriber’s carer,
for example, or in the case of a fire alarm, directly to the fire service). Similarly, the
fact that data from sensors/monitors is received at the ARC in digital format, this
would allow the information to be more easily stored and shared with other
parties. Examples may be sharing details about a subscriber’s activity monitors, fall
detectors, etc with their GP and/or social worker. Clearly privacy and data protection
issues would need to be considered prior to implementing this kind of data sharing.
A further benefit that could be derived from the collection and storage of information
digitally from subscriber’s monitors/sensors is that the Digital Telecare information
could be used for data analytics or “Big Data”. This analysis may mean that new
population trends would become visible, for example being able to predict events based
on trending behaviours and potentially avoid hospital admissions.
7.4 Potential Additional Functionality Benefits
Under the digital Telecare model the controller in subscribers’ homes becomes
a form of ‘digital health hub’ via which a range of Telecare, Telehealth, and other
digital services can be delivered. Digital Telecare provides a higher capacity
connection between subscribers’ homes and the ARC which provides the
capability for the deployment of more sophisticated sensors/monitors and other
devices. Many of the potential additional functionality benefits resulting from digital
Telecare relate to Telehealth applications and these are detailed separately in the
following section.
Digital Telecare could assist with the increased automation of tasks within the
ARC. This could be in the form of carers being automatically contacted in the event of
a fall detector being triggered, automatically calling subscribers whose activity monitors
have not registered movement within a defined period, or with the automation of
reassurance calls. This latter example has already been implemented by Bield
Housing and (as detailed in Section 5.2) is credited with reducing the staff time
associated with these kind of calls from 70 hours to 35 minutes a day. Note that it is
possible to implement elements of this automation on existing analogue Telecare
solutions (as Bield Housing has done), however, it is likely that a digital Telecare
solution will increase the scope and intelligence of the automation that can be
deployed, and make it easier to implement.
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Digital Telecare systems could interface with building management systems and
home automation solutions. In larger premises, building management systems are
commonly deployed as digital systems with the building sensors and controllers
communicating using IP networks, which also allow for remote monitoring and control
of the building environment. This kind of digital building monitoring and control is now
becoming more common in the home environment in the form of home automation
technology, which is becoming increasingly available and affordable. Home
automation technology is now available which allows for the remote and automated
monitoring of a range of in-home devices, such as alarm systems7, heating8, lighting9,
smoke detectors10, and utility meters11.
Within a sheltered housing environment, digital Telecare could allow the ARC to
integrate with the building management system to remotely monitor and control the
building environment, and remotely respond to building incidents, such as resetting fire
panels, for example. Within the home environment, integration with home automation
systems would also allow the ARC to monitor and control a range of devices and
equipment in the home, providing an additional level of monitoring and control than that
currently available.
The bandwidth provided by the digital link between the ARC and subscribers’
homes means that video-based Telecare applications can be supported. It should
be noted that this bandwidth will also support video-based telehealth applications,
which are detailed separately in the next section. Within a subscriber’s home, video
cameras could be used to check on subscribers in the event of a fall or inactivity monitor
being triggered (to check for false alarms) or a smoke detector (a ‘burnt toast’ check).
These kind of applications are currently being trialled in Sweden, albeit using a
standalone system, rather than being integrated into the Telecare solution. Video
cameras could also be used to augment existing arrangements for remote access to
subscribers’ homes allowing the ARC to activate a camera mounted at the front door
in the event of someone pressing the doorbell.
Digital Telecare, and the use of IP standards, means that Telecare monitoring
could be implemented on subscribers’ own digital devices (for example,
7 https://www.ismartalarm.com/ 8 https://www.hivehome.com/ 9 http://www2.meethue.com/en-GB/ 10 https://nest.com/uk/smoke-co-alarm/meet-nest-protect/ 11 http://www.britishgas.co.uk/smarter-living/control-energy/smart-meters.html
NHS24D3V3.0 Page 45 of 60 October 2015
smartphones or tablets), rather than dedicated devices procured and maintained
by the Telecare provider. This is likely to offer cost savings to the Telecare provider
and also widen the scope of monitoring that can be completed. At present it is possible
to envisage Telecare applications that could run on smartphones and tablets,
particularly applications that take advantage of the increasing availability of GPS
tracking and health monitoring capability of these devices.
Digital Telecare sensors/monitors are likely to be smaller than their analogue
equivalent. Feedback on the early digital devices (and more modern analogue devices)
is that they are also more aesthetically pleasing than many of the analogue devices
currently deployed. The fact that digital Telecare equipment is smaller and more
aesthetic than many of the currently deployed analogue devices may assist with
take-up of Telecare services amongst user groups reluctant to be seen as
requiring Telecare.
Digital Telecare may also be able to take advantage of the ‘Internet of Things’,
where an increasing range of devices in the home are also becoming digital and
network enabled. A very wide range of devices in the home could soon become
digitally enabled and so could be monitored by Telecare providers, to augment or
replace existing sensors/monitors in the home. These devices include everyday items
such as fridges, washing machines, toasters, kettles and toothbrushes, which could be
used as a form of activity monitor in the home.
The broadband connection delivered to subscribers’ homes to provide Digital
Telecare, could also be used to assist in addressing social and digital exclusion
issues. Users of Telecare are likely to be within the demographic least likely to have
existing access to the Internet and digital public services. Only 37% of adults aged
over 75 have ever used the Internet, compared with a figure of 87% for the whole adult
population12. Similarly, 30% of disabled adults have never used the Internet13. A
perquisite for delivering Digital Telecare is a broadband connection into subscribers’
homes. If a subscriber did not have an existing broadband connection, then one would
need to be provided (either a ‘wired’ or wireless broadband connection). Once
installed, this broadband connection could also be used by the subscriber to access a
12 Source: Office for National Statistics, Internet Access Quarterly Update, Q1 2014. (http://www.ons.gov.uk/ons/rel/rdit2/internet-access-quarterly-update/q1-2014/index.html) 13 Ibid.
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range of public and other digital services (subject to them also being provided with a
digital device on which to access the Internet and appropriate training).
7.5 Potential Telehealth Benefits
Historically, Telecare and Telehealth have been regarded as distinct and separate
initiatives. Telecare has focused on alarms monitoring the home environment and the
occupant and is now regarded as a mature service. Telehealth has developed more
recently to encompass a range of activities from electronic delivery of health
information, to monitoring of health status through methods ranging from self-
assessment through questionnaires, to electronic transmission of physical
measurements such as weight, blood pressure and glucose levels.
Whilst Telecare is now deployed at scale in many countries, Telehealth remains in a
much more formative and developmental stage with a wide spectrum of smaller scale
trials and limited deployments; although deployment at scale is now a common
objective. Three workstreams within the TEC Programme are addressing areas
concerned with Telehealth in detail: these are discussed briefly below.
Workstream 1: Expansion of Home Health Monitoring
In Scotland, and elsewhere, Telehealth trials have identified benefits, including avoided
A&E attendances, reductions in admissions and inpatient bed-days, improved patient
health status and satisfaction, plus reduced clinical costs.
In broad terms a consensus is developing across Europe that Home Health
Monitoring will have a significant role in future healthcare delivery based on
improvements and cost reductions in the technology, better integration with
existing healthcare processes and improved organisational arrangements, and
demand from patients and the public.
At the disease level the evidence appears strongest for Home Health Monitoring
for diabetes, heart failure, COPD and hypertension. Additional offerings such as
lifestyle advice and monitoring, cognitive behavioural therapy, monitoring of IBD
symptoms, remote exercise classes and video links for speech therapy, are also being
investigated. mHealth (mobile health) is of increasing interest as it reflects the more
widespread ownership of smartphones and the use of Health apps.
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TEC Workstream 1 is developing a national model for home health monitoring reflecting
the experience that has been gained to date and from the ongoing United4Health
programme which is targeting home health monitoring for 7,700 people across the
West of Scotland with diabetes, heart failure or COPD. This conceptual model
identifies four tiers of monitoring of which levels 3 and 4 would involve significant
data exchange between the patient and a ‘monitoring centre’:
Tier 3: Care Management includes use of health coaching, phone applications,
simple telehealth and SMS text and other SMS based solutions as part of
anticipatory care intervention. Home monitoring devices will be used to enable
and support behavioural change, self-management and patient led decision
making;
Tier 4: Case Management involves Home Health Monitoring provided on a 7
day per week basis as part of an integrated clinical pathway.
The conceptual model as planned and implemented within United4Health involves
website access, local PC or smart phone applications, and periodic update to a central
receiving point of patient input information or data from locally attached devices. Most
of the data exchange currently is periodic and suitable to a local broadband connection
and communication across the Internet, or, increasingly, communication across the
mobile telephone network. Importantly, some of the most successful applications make
use of simple questionnaires and SMS technology.
Our understanding is that Workstream 1 is not currently assuming widespread
availability of dedicated digital lines to patient homes over and above existing
broadband connections and smartphone connections. There is increased use of
Bluetooth to communicate from measuring devices to the broadband connection which
is replacing patient transcription of results. Additionally, there is encouragement to
suppliers to provide, and there is rising use of, software applications which patients can
download to run on their own laptops or tablets which sit between measuring devices
and the broadband connection.
Although United4 Health is intended to evaluate models and approaches for delivering
Telehealth at scale and is still to be fully evaluated, the expectation is developing that
Telehealth will in future have applications for a significant number of people across
Scotland given the incidence of disease and the range of possible future applications.
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Workstream 2: Expanding the Use of Video Conferencing
In the videoconferencing area, NHS Scotland has an existing deployment that supports
remote communication for NHS clinical professionals and management. There are
also clinical applications, for example supporting minor accident departments and
enabling remote clinical consultations, which can save significant travelling time. The
intention is not only to widen this within health, but also to local authority
establishments, the independent sector (care homes), and citizens at home.
Digital lines installed for Telecare monitoring purposes would offer an
opportunity for Teleconferencing and given that this is, in general, a vulnerable
population, there is likely to be some scope for additional use for Telehealth
videoconferencing purposes to provide remote consultations, advice and
support.
Workstream 3: Building on the Emerging National Digital Platform
Scotland has a number of digital platforms for citizens. The most significant is Living it
Up which enables self-assessment of lifestyle and providing information on local
services, community groups and support for self-management. A second platform,
ALISS, is a search and collaboration tool for health and wellbeing resources in
Scotland. Workstream 3 is exploring the definition of a national digital platform
including the services that this might encompass. This may include extension to citizen
input and sharing of information with health and care workers.
Future Development
Looking forward, it can reasonably be expected that Telehealth use will develop from
the current trials based approach to larger scale standardised services. These will be
integrated into, and complement, existing care packages for patients and citizens.
Additionally, there will be some overlap with citizens who need Telecare services
and also Telehealth services i.e. individual citizens will require an overall
integrated package that monitors their physical environment and also their
health status, including advice and support services, as appropriate to their
individual unique circumstances.
Current Telehealth solutions are implemented with specifically developed hardware
and software, much like current Telecare solutions. Although the two services do differ
in the information that is being collected and monitored, the communication
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infrastructure used to deliver both services can be common and there may be
opportunities from a more integrated approach.
The move to digital connections and appropriate terminal equipment could allow these
two separate services to be more integrated, and consequently able to provide a
subscriber with a single, personally tailored package for remote environmental and
health monitoring and care. There may also be advantages in common or shared
organisational delivery and support arrangements.
Additionally, a single integrated approach to both Telecare and Telehealth could
allow the accumulation of patient data from all sensors and measuring devices
in a patient’s home to be transmitted to the necessary recipients from a single
terminal device. Not only would this provide the patient with a single solution it
may allow for better data analytics as there are more aspects of the patient’s
activity and health that are collected.
However, it is not clear that such an integrated approach will necessarily be the best
way forward, particularly as Telecare remains in a significant phase of development
and growth and this should not be inhibited. The relative benefits and disadvantages
will require further exploration.
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8. Product 1 Conclusions
This first product into the transition of Telecare in Scotland from analogue to digital has
audited the current digital status of Telecare solutions in Scotland and has examined
the potential benefits a move to digital Telecare may deliver.
For the purposes of this study digital Telecare is defined as follows:
A Telecare solution is considered to be Digital if it carries information end-to-
end, from sensor / monitor, to the Alarm Receiving Centre agent’s workstation
/ telephone in a digital form without any conversion occurring. In technical
terms, this means that data will be carried end-to-end using Internet Protocol
(IP) format.
To establish the current digital status of Telecare solutions in Scotland, questionnaires
were sent to all ARCs that are operated by, or on behalf of, Scottish public bodies. 81%
of questionnaire responses were received. The responses are consistent with those
received by SCTT in previous, similar exercises. It is estimated that there are 22 ARCs
delivering telecare solutions for, or on behalf of, Scottish public bodies. No Scottish
Telecare solution currently meets the definition of digital Telecare. There are examples
of deployments based on digital technology, for example geofencing and video camera
use, but these are limited in scale and number and tend to be deployed as standalone
solutions, separate to the main Telecare systems.
The current Scottish Telecare systems use solutions from a number of suppliers and
range in age, although Tunstall is the most common supplier of ARC equipment. This
is a factor that will need to be considered in the next Product of this study when the
high level implementation guide for digital Telecare is developed. The fact that ARCs
are starting from different positions, with some more ‘digital ready’ than others, will
mean that there are a number of challenges in developing a single standard approach
for the deployment of digital Telecare.
Telecare providers would currently struggle to procure a Telecare solution that met the
above definition of digital Telecare and delivered all of the potential benefits identified.
This is because none of the larger suppliers currently offer an end-to-end digital
solution, although some are closer to being able to offer this than others. Lack of
customer demand, and the absence of recognised standards for digital Telecare, are
factors contributing to this situation. This is another factor that that will need to be
NHS24D3V3.0 Page 51 of 60 October 2015
considered as part of the high level digital Telecare implementation guide produced in
the next Product of this study. It is clear that a direct move to a fully digital Telecare
solution is probably not viable, and an approach based on an incremental digital
deployment is more likely to be used.
This incremental digital deployment approach is being used in Sweden. The initial
focus of digital Telecare has been the shift to digital connection between in-home
controllers and the ARC. This is to address the reliability issues experienced following
the main Swedish telecom provider’s shift to using digital technology in their core
networks, and the end of their obligation to provide analogue exchange lines. Currently
40,000 of Sweden’s 220,000 Telecare subscribers have been shifted to this digital
technology. Given the incremental deployment of digital technology, the current
Telecare solutions in Sweden do not meet our definition of digital Telecare.
The experience from Sweden, along with the discussions held and questionnaire
responses received from Scottish Telecare providers, have allowed a range of potential
benefits of digital Telecare to be identified. These potential benefits fall into four main
themes:
Reliability – Potential benefits relating to improving the reliability and quality of
Telecare services, or ensuring the continuity of Telecare;
Efficiency – Potential benefits relating to improving the efficiency of Telecare.
These relate both to efficiencies gained through improvements in delivery
methods and utilising increased sharing of information/partnership working to
broaden services;
Additional Functionality – Potential benefits obtained by using digital technology
to deliver new Telecare functionality and services;
Telehealth – Potential benefits obtained by using digital Telecare technology to
support the delivery of Telehealth services.
At this stage of the study, potential benefits have been identified, but no further analysis
of them has been completed. The Cost Benefit Analysis completed in Product 2 of this
study will establish the value and viability, or otherwise, of each of these potential
benefits.
A number of the potential benefits identified relate to the additional capacity, flexibility,
and future-proofing that digital Telecare could deliver. These reflect the fact that digital
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Telecare provides an enabling platform which could be used to deliver change and a
range of new services and applications, and not just those directly related to Telecare.
The nature of this change is not currently fully understood, and is, to a large degree,
dependent upon the output from the other four Workstreams of the Technology
Enabled Care programme. Programme-level co-ordination will need to ensure that the
Workstreams take account of each others’ findings and that cross-dependencies and
potential overlap in business cases is identified. It is likely that costs identified in the
Digital Telecare business case will act as an enabler for benefits delivered in other
Workstreams. For example, using the digital Telecare connection to subscribers’
homes could also deliver video-conferencing (Workstream 2) or home health
monitoring (Workstream 1) services.
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Appendix A – Glossary
Term Definition
Alarm Receiving Centre (ARC) “Community alarm and Telecare services require an Alarm Receiving / Monitoring Centre capable of receiving and responding to alerts raised by the equipment in order to initiate the appropriate action. Many areas have established a 24 hour call monitoring centre to perform this function, where one or more trained operators (call handlers) provide an immediate, skilled, sensitive response to the person, or to the alarm. This part of the service is referred to as an Alarm Receiving Centre (ARC), monitoring centre, or call handling service.”
Joint Improvement Team
ALISS A Local Information System for Scotland.
Analogue The transmission of voice or data using audible tones.
Bluetooth Bluetooth is a standard created for short range, point-to-point, wireless communication.
British Standards Institute (BSI) The national standards body for the UK. Produces standards of quality for goods and services.
Cloud / Hosted Solution A model of subscribing to computer based services. In a cloud/hosted solution the hardware required to provide the service is owned by the service provider and located in their data centre. The service provider then uses this equipment to provide services to a number of customers. Customers access the equipment via the Internet or a private data network.
This model of service delivery is frequently marketed as a lower cost alternative to a customer buying and maintaining their own hardware and housing in their own premises (the in-house approach).
COPD Chronic Obstructive Pulmonary Disease.
Digital The transmission of voice or data in a discrete binary form. In the case of voice, analogue voice is ‘digitised’ into a digital form.
DSL Digital Subscriber Line. A technology used for delivering Internet broadband services over analogue telephone lines.
Dual Tone Multi-Frequency (DTMF)
A method of transporting data over a telecommunications network that uses audible tones to represent data.
FTE Full Time Equivalent.
Geo-fencing A geo-fence is a technology which uses GPS (the same as used by satellite navigation) to track vulnerable service users. If a user travels outside a pre-programmed area (a geo-fence),
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Term Definition
for example further than 1 mile from their home, then an alarm is raised. The technology reports on the user’s location to allow a responder to find them.
GSM/2G/GPRS/EDGE/3G/4G Standards for mobile telephones describing how telephone connect to a mobile provider’s network.
Multiple standards are in use today and more modern phones are ‘backwards compatible’ to allow them to connect to older networks.
All standards support the transfer of digital data via the mobile network. Older standards (GSM/2G/GPRS/EDGE) can only provide low speed data transfer. More modern standards (3G/4G) offer faster transfer speeds, in the case of 4G speeds can be similar to a home “wired” broadband connection.
IBD Inflammatory Bowel Disease
Internet Protocol (IP) The most common computer networking protocol. Used on the Internet and a large number of other private computer network. It supports a unique addressing scheme which allows devices on a network to know where to send data.
Mobile SIM A subscriber identity module (SIM) is a small device (usually a small plastic card) which contains a unique secure identifier for a mobile device which allows it to connect to a specific carrier’s network.
Next Generation Network (NGN) A telecommunications network built to transport data in its native digital form, generally using IP.
Private Branch Exchange (PBX) A phone system used by medium/large companies and organisations to allow calls to be made between, to, and from internal users.
Private Data Network A Private Data Network is typically used by organisations who need to transfer data between sites without the data crossing the Internet.
Public Switched Telephone Network (PSTN)
A national telephone network comprised of a number of providers interconnected networks. The PSTN provides connections to users via a range of methods, but most commonly via copper wires connected to the user’s premises.
Session Initiation Protocol (SIP) A communications protocol for initiating and controlling multimedia sessions between two hosts (computers) over IP data networks.
SMS Short Message Service – better known as Text Messaging.
Social Care Alarms over IP (SCAIP) Protocol
An open protocol that establishes a connection between an alarm sender and receiver over an IP network. Defines how to handle event messages and multimedia streams.
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Term Definition
Social Care Alarms over IP (SCAIP) Standard
A standard that details how the protocol handles multimedia communication streams between the alarm sender and receiver over an IP network.
Subscriber A user of public Telecare / telehealth services.
TEC Technology Enabled Care.
Telecare “The provision of care services at a distance using a range of analogue, digital and mobile technologies. These range from simple personal alarms, devices and sensors in the home, through to more complex technologies such as those which monitor daily activity patterns, home care activity, enable 'safer walking' in the community for people with cognitive impairments/physical frailties, detect falls and epilepsy seizures, facilitate medication prompting, and provide enhanced environmental safety.”
Scottish Government: A National Telehealth and Telecare Delivery Plan for Scotland to 2016: Driving Improvement, Integration and Innovation
“The remote or enhanced delivery of care services to people in their own home or in a community setting by means of telecommunications and computerised services. Telecare usually refers to sensors and alerts which provide continuous, automatic and remote monitoring of care needs, emergencies and lifestyle changes, using information and communication technology (ICT) to trigger human responses, or shut down equipment to prevent hazards”
Joint Improvement Team 2011
Telehealth “The provision of health services at a distance using a range of digital and mobile technologies. This includes the capture and relay of physiological measurements from the home/community for clinical review and early intervention, often in support of self management; and "teleconsultations" where technology such as email, telephone, telemetry, video conferencing, digital imaging, web and digital television are used to support consultations between professional to professional, clinicians and patients, or between groups of clinicians.”
Scottish Government: A National Telehealth and Telecare Delivery Plan for Scotland to 2016: Driving Improvement, Integration and Innovation
WiFi WiFi is a technology that allows wireless networking between devices.
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Appendix B – List of Consultees
The table below details the individuals who FarrPoint spoke to during completion of this study.
We would like to thank all concerned for their valuable input to our work.
Contact Organisation
Professor George Crooks OBE NHS 24 / Digital Health Institute.
Pamela Rennie
Moira Mackenzie
Russell Scott
NHS 24 / Scottish Centre for Telehealth and Telecare
Andrew Nelson Tunstall
Heather Laing Edinburgh Council
Sharon Ewen
Fiona Millar Bield Housing Association
Rob Turpin British Standards Institute
Per-Olof Sjöberg
Claus Popp Larsen
Digital Health Lab, Swedish Institute of Computer Science
Alistair Hodgson
Amanda Leithead
Doreen Watson
Joint Improvement Team
Raymond McGill East Lothian Council
Ian Whitelaw Falkirk Council
Jill Atkey Appello
Tom Morton Communicare247
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Appendix C – Summary of Potential Benefits
Potential Reliability Benefits
The use of an end-to-end digital Telecare solution would remove the issues associated with the
quality of analogue signalling causing calls to fail.
The use of a digital Telecare solution would carry calls end-to-end in a digital format and so
could result in improved voice quality for both the ARC agent and subscriber. It is also possible
to provide “High Definition Audio” via a digital connection providing more enhanced clarity.
Digital Telecare solutions can notify the ARC of alarm conditions even when a subscriber’s
phone line is engaged or a call with the subscriber is in progress. Digital Telecare solutions
can also notify the ARC of multiple alarm conditions simultaneously (particularly relevant to
sheltered housing and other multi-resident situations).
The use of digital sensors/monitors/ would allow regular, two-way, and more detailed
communication to be completed with the controller device. This would allow the controller to
regularly check that sensors/monitors were still operating correctly, allowing device failures to
be quickly identified.
The digital connection between the controller and the ARC would allow the ARC to complete
regular checks that the controller is operating correctly.
The fact that there is a digital connection end-to-end between sensor/monitor and ARC would
potentially provide the ARC with visibility of the solution’s health and configuration, right through
to the end devices.
A shift to digital Telecare would ensure that Telecare services were unaffected by any future
decommissioning of analogue phone lines.
Potential Efficiency Benefits
The shift to digital Telecare means that there is a high degree of flexibility in how alarm calls
are routed and shared.
Digital Telecare could increase ARCs’ ability to cope with a Disaster Recovery situation.
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The increased flexibility in call routing could allow calls to be routed intelligently, based factors
such as time of day and call volumes.
Increased flexibility in call routing would more easily allow the number of ARCs to be reduced.
The shift to digital Telecare means that there is a high degree of flexibility in where ARC
equipment is located and who uses it.
ARC agents do not need to be co-located, potentially meaning that a dedicated Telecare facility
is not required.
There is potential for a number of Telecare providers to share ARC equipment and so reduce
equipment spend and support costs.
Telecare providers would no longer need to procure their own ARC equipment and instead
could procure their ARC as a cloud hosted service from an external supplier.
Telecare providers could opt to fully outsource responsibility for providing ARC equipment and
operating the ARC to an external supplier.
There is potential for the digital Telecare solution to share or utilise elements of a Telecare
provider’s existing IT infrastructure.
The fact that digital Telecare solutions will use mature technology and established standards is
likely to increase competition in the marketplace and so reduce equipment costs.
Digital Telecare solutions could have the ability to deliver sensor/monitor outputs to multiple or
different locations.
The fact that data from sensors/monitors is received at the ARC in digital format, would allow
this information to be more easily stored and shared with other parties.
Digital Telecare information could be used for data analytics or ‘Big Data’.
Potential Additional Functionality Benefits
Under the digital Telecare model, the controller in subscribers’ homes becomes a form of ‘digital
health hub’ through which a range of Telecare, Telehealth, and other digital services can be
delivered.
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Digital Telecare provides a higher capacity connection between subscribers’ homes and the
ARC and this provides the capability for the deployment of more sophisticated sensors/monitors
and other devices.
Digital Telecare could assist with the increased automation of tasks within the ARC.
Digital Telecare systems could interface with building management systems and home
automation solutions.
The bandwidth provided by the digital link between the ARC and subscribers’ homes means
that video-based Telecare applications can be supported.
Digital Telecare, and the use of IP standards, means that Telecare monitoring could be
completed on subscribers’ own digital devices (for example, smartphones or tablets), rather
than dedicated devices procured and maintained by the Telecare provider.
The fact that digital Telecare equipment is smaller and more aesthetic than many of the
currently deployed analogue devices may assist with take-up of Telecare services amongst
user groups reluctant to be seen as requiring Telecare.
Digital Telecare may also be able to take advantage of the ‘Internet of Things’.
The broadband connection delivered to subscribers’ homes to provide Digital Telecare, could
also be used to assist in addressing social and digital inclusion issues.
Potential Telehealth Benefits
A consensus is developing across Europe that Home Health Monitoring will have a significant
role in future healthcare delivery based on improvements and cost reductions in the technology,
better integration with existing healthcare processes and improved organisational
arrangements, and demand from patients and the public.
At the disease level the evidence appears strongest for Home Health Monitoring for diabetes,
heart failure, COPD and hypertension.
TEC Workstream 1 is developing a national model for home health monitoring. The conceptual
model identifies four tiers of monitoring of which levels 3 and 4 would involve significant data
exchange between the patient and a ‘monitoring centre’.
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Digital lines installed for Telecare monitoring purposes would offer an opportunity for
Teleconferencing and given that this is, in general, a vulnerable population, there is likely to be
some scope for additional use for Telehealth videoconferencing purposes to provide remote
consultations, advice and support.
There will be some overlap with citizens who need Telecare services and also Telehealth
services i.e. individual citizens will require an overall integrated package that monitors their
physical environment and also their health status, including advice and support services, as
appropriate to their individual unique circumstances.
Current Telehealth solutions are implemented with specifically developed hardware and
software, much like current Telecare solutions. Although the two services do differ in the
information that is being collected and monitored, the communication infrastructure used to
deliver both services can be common and there may be opportunities from a more integrated
approach.
There may be advantages in common or shared organisational delivery of Telecare and
Telehealth and support arrangements.
Additionally, a single integrated approach to both Telecare and Telehealth could allow the
accumulation of patient data from all sensors and measuring devices in a patient’s home to be
transmitted to the necessary recipients from a single terminal device. Not only would this
provide the patient with a single solution, it may allow for better data analytics as there are more
aspects of the patient’s activity and health that are collected.